Abstract
The extent to which "hypersensitivity" can serve as a legal basis for demanding additional compensation has always been a controversial issue in tort law. A key challenge facing courts lies in determining how the "thin-skull rule," traditionally related to physical conditions that predispose an individual to additional injury, can be applied to claims from "hypersensitive" plaintiffs citing personality-linked vulnerabilities of a religious, socio-cultural, or psychiatric nature. This article critically evaluates the viability of the "ordinary-fortitude test" adopted by the Supreme Court of Canada in Mustapha v. Culligan, and discusses the relative merits of a "multi-factorial test" in determining the admissibility of personalitylinked "thin-skull claims." In this regard, a fact-specific, contextual approach that considers the causalnexus between the defendant's negligence and the plaintiff's injury would provide a more flexible framework with which to measure liabilitythan an artificially-defined "one-size-fits-all" standard of "psychologicalresilience" in an increasingly multicultural Canada.
| Original language | Canadian English |
|---|---|
| Journal | Dalhousie Law Journal |
| Issue number | 2.0 |
| Publication status | Published - Oct. 1 2014 |
Keywords
- hypersensitivity
- compensation
- tort
- courts
- thin-skull rule
- injury
- Supreme Court of Canada
- psychological resilience
Disciplines
- Torts
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